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Conflicts of Interest at Duke: Identification, Disclosure, Management

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Title: Conflicts of Interest at Duke: Identification, Disclosure, Management


1
Conflicts of Interest at DukeIdentification,
Disclosure, Management
  • Joan M Podleski
  • Director, Duke IECP

2
Agenda
  • Overview of Administrative Conflict of Interest
  • Current Climate
  • Industry Trends Regulatory Environment
  • Key Points of Policy
  • Responsibilities
  • Related Policies Nepotism Procurement
  • Examples and FAQs
  • Questions

3
Administrative COI Policy
  • Approved by Duke Board of Trustees May 2008
  • Affects officers, directors, and any individual
    with administrative responsibilities
  • Policy addresses financial conflicts, conflicts
    of commitment, and conflicts that may be
    presented by the employment of or business
    relationship with a relative (nepotism)

4
Scope of Policy
  • Administrators who
  • Are involved in decisions or serve in a position
    to influence, recommend, or make purchases
  • Hire employees
  • Offer expert advice, or influence or manage
    vendor relationships
  • AND the family of those administrators

5
Issues Addressed in Policy
  • Potential Conflicts of Interest
  • Ownership or employment by a vendor doing
    business with Duke
  • Acceptance of gifts from vendors or potential
    vendors
  • Consulting relationships with a vendor doing
    business with Duke when the administrator can
    influence decisions or recommendations related to
    that business

6
Issues Addressed in Policy
  • Conflict of Commitment
  • Membership on boards or advisory boards that take
    time away from work to the extent that full-time
    job obligations are not met
  • Employment by another entity that is part-time,
    but that interferes with meeting the
    administrators full-time job obligations to duke
  • Aggregate time spent in outside activities that
    interfere with the performance of Duke
    obligations

7
Current Climate
  • Industry trends
  • Increased governmental focus on transparency and
    accountability
  • Office of Inspector General reviewing how federal
    funding agencies are monitoring for COI
  • Pending legislation (Sunshine Act)
  • Research programs shut down due to apparent
    conflicts
  • Applicability to non-medical research becoming
    more common

8
Industry Trends AAMC Task Force Report on
Industry Funding of Medical Education
  • Establish policies governing interactions between
    drug and device industry reps and clinicians
  • Recommend Elimination of
  • Gifts
  • Free samples (manage through centralized process)
  • Pharmaceutical rep visits in patient areas
  • Faculty involvement in industry-sponsored
    speakers bureaus
  • Ghostwriting

9
COI Policy Key Points
  • Clarity of compliance and disclosure
    responsibilities for those in administrative
    roles
  • COI reporting form Declaring relationships
  • Definition and guidance on conflict of interest,
    conflict of commitment, nepotism
  • Definition and clarification on material gifts
  • Creation of FAQs to provide guidance

10
Responsibilities How will this affect me?
  • Compliance and disclosure for those in
    administrative roles
  • Guidance to review staff disclosures of
    relationships
  • Oversight of any COI management plans put in
    place
  • Reinforces confidentiality obligations

11
Procurement Issues
12
Responsibilities How will this affect me?
  • Product Review Committee members
  • Sign disclosure form
  • Reaffirm COI status at each meeting
  • Disclosure responsibilities
  • If COI exists, participant not involved in
    decision making
  • Strict confidentiality regarding information
    discussed in meetings
  • Product Requesters
  • Sign disclosure form

13
Vendor Review Meetings
  • Codicil to meeting documents
  • As part of the work of this team, you will have
    access to pricing and other vendor information.
    Materials and pricing provided by vendors should
    not be shared outside the team nor should such
    information be made available or communicated in
    any way to anyone outside Duke. It is important
    that you maintain the highest level of
    confidentiality regarding this process and any
    information you receive. Disclosure of
    information outside the team may result in
    disciplinary action, up to and including
    termination of your employment at Duke.

14
  • Examples

15
Examples
  • Are individuals covered by this Policy permitted
    to accept any gifts, or are all gifts banned?
  • The policy prohibits the acceptance of material
    gifts, favors, or hospitality that might
    influence or appear to influence their decision
    making or compromise their judgment in actions.
    Material is defined to be anything having a
    fair market value of 25 or more.

16
Examples
  • An example of a prohibited gift is accepting
    tickets to sporting events, concerts, plays, and
    similar events accepting merchandise of greater
    than 25 in value.

17
Examples
  • Are vendors still able to provide lunch during a
    lunch and learn session when they are providing
    training on a new product that is being
    implemented?
  • Vendors may provide nominal lunches such as pizza
    or sandwiches.

18
Examples
  • What about visiting vendors facilities? May
    vendors pay for site visits?
  • No. With regard to visits to vendor facilities,
    if the department administrator in consultation
    with Procurement determines that it is in the
    best interest of Duke, then Duke will pay the
    travel expenses.

19
Examples
  • What if I am participating on a vendor-sponsored
    user group? May a vendor pay my travel expenses?
  • No. If your participation on a user group has
    been approved by your immediate supervisor as
    being in the best interest of Duke, then Duke
    will pay the expenses.

20
Examples
  • When a vendor sponsors a seminar, may they pay
    for my time and travel to the seminar?
  • If you will be presenting on a topic unrelated to
    the vendors product or service, the vendor may
    pay for your expenses but not your time.
  • If the presentation is related to the vendors
    product or service, the vendor may NOT pay any of
    the expenses.

21
Examples
  • May I attend a seminar which is sponsored by a
    vendor that is offered free to all participants?
  • Yes. Because the vendor is paying for all
    participants, this would not be a violation of
    the Conflict of Interest policy.
  • On-site meals that are part of the event may be
    included.

22
Examples
  • May I provide consulting on my personal time or
    is this a conflict of commitment or conflict of
    interest?
  • This situation could be a conflict of interest or
    commitment. In order to comply with the Policy,
    you should take the following steps

23
Examples, cont.
  • Next Steps
  • Notify your manager
  • Complete a revised Disclosure Form for review
  • Manager must consider if responsibility conflicts
    with Duke position and propose a management plan
    if appropriate
  • Employee cannot use Dukes name, materials or
    other Duke staff members to perform outside
    responsibilities
  • Employee must perform Duke obligations, e.g., be
    available for coverage or overtime requirements
    with no special considerations
  • Employee cannot use information gained at Duke
  • Employee should identify any vendor funding for
    supervisor to consider in management process
  • Manager must oversee the management plan agreed
    upon by the COI review committee and the employee

24
COI Policy Summary
  • COI Policy requires individuals with
    administrative responsibilities to exercise their
    best care, skill, and judgment for the benefit of
    Duke
  • Individuals shall not accept any material gifts,
    favors, or hospitality that might influence their
    decision making or compromise their judgment in
    actions affecting the University.
  • If an employee has a relationship with a vendor
    representative, it could be interpreted as a
    conflict of interest in influencing product
    decision making or it may be seen as Duke
    sponsoring a particular product.

25
COI Policy Summary
  • Policy covers financial conflicts, conflicts of
    commitment and nepotism
  • Policy requires disclosure of all outside
    relationships as defined in the policy and fully
    answer all questions on the COI Disclosure Form
  • Disclosures will be reviewed to determine if
    there is a conflict that needs to be managed or
    eliminated
  • Compliance is required with this and all Duke
    policies

26
Questions
  • For questions regarding Conflict of Interest,
    please contact
  • conflictofinterest_at_duke.edu
  • Office of Internal Audits at 613-7630
  • Duke Procurement at 681-5900
  • Compliance concerns can be reported to the
    Duke Institutional Ethics Compliance Office at
    919-613-7691 or to iecp_at_duke.edu. Issues can be
    reported anonymously to the Duke Compliance
    Fraud Hotline at 1-800-849-9793.
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